the mzansi and zimele product standards: impact to...
TRANSCRIPT
Making financial markets work for the poor
The Mzansi and Zimele product standards: Impact to date and
options going forward
Presentation to SAIA and ASISA Johannesburg Country Club
25 August 2011
This research project was funded by Old Mutual, SAIA and the FinMark Trust
Contents
1. Introduction
2. Mzansi
3. Zimele
4. RSA Retail Savings Bonds
5. Fundisa
6. Conclusions
Introduction
Independent trust established in 2002
Initial funding from the UK’s Department for International Development (DFID)
Mission: “Making Financial Markets Work for the Poor” in Southern Africa
Facilitating and catalysing the next generation of development around access to financial services.
Financial inclusion
Regional financial integration
Theme areas:
FinScope
Housing finance
Credit
Consumer financial empowerment
Rural and agricultural finance
Retail payment systems
Insurance
Further information available at: www.FinMarkTrust.org.za
About FinMark Trust and Cenfri
Take-up vs. Timeline
2004
Retail savings bonds
Take-up: 36,000 policies
2006
Take-up: 30,000 policies
Mzansi insurance products
2007
Take-up: 2,000,000 policies
2007
Take-up: 16,000 policies
Zimele insurance products
Fundisa savings product
2010
2010
2010
2010
Objectives of the standards
• Focus of study: What has been the impact of that standards, have they been successful and what should be done going forward?
• Objectives of standards not articulated but could include a combination of:
• Compliance tool to assist companies in obtaining Charter points
• Assisting companies in reaching Charter targets
• Catalyse better value, commercially viable products
• Facilitate collective effort to develop the market
• Establish trust in common brand
Mzansi
Standard features and access principles
Physical Accessibility
Appropriateness
Affordability and fair value
Simplicity and understanding
Charter Access principle
Mzansi industry standard
• Products targeting Black people, low-income and
falling within LSM 1-5 • Products meeting first-order needs of this market • Products to meet identified needs of LSM 1 - 5 • Products must be flexible in terms of regularity and
size of payments
• Cheaper products offering better value • Pricing must ensure sustainability • If applicable, a return of contributions to be
guaranteed • If appropriate, impose price guidelines or maximum
prices • Consumer education to be offered free of charge • Products to be available in areas previously unserved
or underserved • Sufficient service points to meet needs of population
previously unserved or underserved
• Products must be simple and understandable in terms
of design, pricing, terms and conditions • Disclosure of product features, terms and conditions
to be standardised to enable comparisons across products
• Standardised disclosure must apply to fees, commissions, and other charges.
• Small contributions need to be accepted but should
have a choice of lump sum if this reduces costs • Ability to make up missed premiums should be allowed • Ability to pay premiums any day of the month • Irregular payments should be allowed
• Household contents and Homeowners insurance should
aim to replace that which was lost rather than provide cash.
• Replacement should be at the value selected; That is averaging should not apply
• The policy cannot be cancelled after the first non – payment. The policy holder must be given the opportunity to make up premiums.
• No physical accessibility standards as products
marketed mainly through brokers, call centres or other financial institutions’ infrastructure
• ShareCall line available 07h00-19h00 and on Saturdays 08h00-14h00.
• The documentation must be simple and
understandable and comply with the proposals in the sample policy wording.
• Standardised disclosure : commission, conditions for exit, exclusions and lapse periods and their implicationa
• A simplified version of the SASRIA wording has been designed for products meeting these standards. This must be included in the policy wording
Compliant products
MZANSI NEAR MZANSI ACCESS
MZANSI PRODUCT STANDARDS
Fully compliant with all of the standards • Have received accredtiation from the FSCC •Comply with all of the requirements of the standard •By virtue of this have also qualified for SASRIA discounted rate
Accredited but not fully compliant • Have received accredtiation from the FSCC •DO NOT comply with all of the requirements of the standard •By virtue of this have NOT qualified for SASRIA discounted rate
Not accredited and not fully compliant • Have NOT received accredtiation from the FSCC •DO NOT comply with all of the requirements of the standard •By virtue of this have NOT qualified for SASRIA discounted rate
5 products as a result of Mzansi
MZANSI
Insurance company
Product Premium Cover/sum assured Distribution Policies in force
Santam MultiHome R21 (minimum) - R100 (Maximum) Average premium R80
Building and/or household contents: Cover ranges from R40,000 - R370,000
Affinity groups Greater than 5,000
Mutual and Federal
Insurance 4 All R21 (minimum) Building: R18,000 - R108,000 Household contents: R10,000 - R40,000
Through Nedbank and Mutual and Federal agents who advertise within local communities and other target areas
Less than 5,000
Additional bereavement cover: R2,150 per family member
NEAR MZANSI
Hollard Jet Protect R99.00 (fixed) Household contents: R50,000 Through Jet stores retail outlets
Greater than 5,000
Building: R50,000 Theft/robbery: R15,000
ACCESS
ABSA Flexisure Plan A to Plan D
R22.25 to R82.75 for (household contents, public/personal liability, personal accident and theft) and R8.75 - R52.50 for building
Household contents and others: R15,000 - R70,000 Personal Accident: R5,000 Theft/robbery: R1,500 - R7,500 Public/personal liability: R50,000 Building: R25,000 - R150,000
Tick-box method – to ABSA bank account holders through bank tellers
Less than 5,000
OUTSurance Essential R50 (average) for building R74 (average) for household contents R185 (average) for motor vehicle
Household contents: R40,000 (average) Building: R50,000 Motor-vehicle: R27,000 (average)- risk based on an individual basis
In-bound call sales Less than 5,000
‘Problematic’ product features
Alternative premium collection
Product definition
Theft
Premium grace periods
•Defined as household contents and structure insurance only
•Inclusion of theft cover – was viewed as potentially increasing the cost of the product
•Allowance of irregular payments and grace periods
•Various premium collection mechanisms but mainly through debit orders – that is client has to be banked in most instances
Distribution •Exemption from physical access – means variety of distribution channels: affinity groups, in-bound calls, agents, tick-box, retailers.
Other issues to consider
• Branding – none of the companies adopted the Mzansi brand • ‘Flexibility’ • Adoption – 3 products: Mzansi, Near-Mzansi and Access •‘For the man on the street’– looking at the product features and the market • Take up • FAIS
Zimele
Features of the standards
Affordability and fair value
• Products to meet identified needs of LSM 1 - 5 • Products must be flexible in terms of regularity and size
of payments
• Cheaper products offering better value • Pricing must ensure sustainability • If applicable, a return of contributions to be guaranteed • If appropriate, impose price guidelines or maximum
prices • Consumer education to be offered free of charge
Charter Access principle Specific Access principles
Appropriateness
Physical access
Simple and understandable
• Products to be available in areas previously unserved or underserved
• Sufficient service points to meet needs of population previously unserved or underserved
• Products must be simple and understandable in terms of design, pricing, terms and conditions
• Disclosure of product features, terms and conditions to be standardised to enable comparisons across products
• Standardised disclosure must apply to fees, commissions, and other charges.
Zimele standard
• Products covered include funeral, life, disability and credit life
• Monthly payment of premiums • Grace period of up to 6 months • No exclusions for pre-existing conditions
• Maximum prices set for funeral, life, disability and credit life (initially more expensive but currently cheaper)
• One same terms reinstatement available for 3 months from last date of premium payment
• Minimum cover of R30k for life and disability • Maximum cover of R20k for funeral
• 80% of LSM 1 – 5 should, at least once per month, purchase products, pay premiums & amend policy within 40kms of usual place of residence or work
• 80% of LSM 1 – 5 should, at least once every 12 days, lodge a claim and receive payment of claim within 80kms of residence or place of work
• Documentation to include product description, sales process and servicing process
• Summary of policy terms must be available in any of the eleven languages on request
• Standard industry template developed
Zimele products
Insurer Product type Name Sales channel Premiums/cover Policies
ABSA Life Funeral Flexi Funeral O/bound call cntres Bank branches
Member: R28-R70/R6k to R20k Member& spouse: R48-R130/R6k-R20k Member, spouse + children:R53-R160/R6k-R20k
( > 300,000)
Metropolitan Funeral Future Provider face-to-face sales force Member: R25-R85/R5k-R20k Member, spouse + children:R25-R85 Parents:R13-R165
(< 50,000)
Assupol Funeral Cornerstone Tied Agents Brokers
Member: R35 to R65/R5k-R10k
Avbob Funeral Zonke Bonke Funeral parlours Member: R24-R81/R5k-R20k Member, spouse + children:R44-R161/R5k-R20k
Old Mutual Funeral Funeral Plan Salaried agents Member: R42-R84/R10k-R20k Member+spouse: R29-R119/R5k-R20k Parents: R41-R165
Liberty Active Funeral Funeral Plan O/bound call cntres Bank branches
Member:R69/R20k
Old Mutual Life & disability
Life & disability Salaried agents Member:R81/R30k-R150k
ABSA Life Life Phase-in O/bound call cntres Bank branches
Cover:R30k-R50k
Hollard Funeral Pep Funeral Pep stores immediate family: R39/R15k
Momentum Funeral Funeral Plan O/bound call cntres Cover:R50k
Sanlam Sky Funeral Group scheme – Kganya Burial Benefit Scheme
Group scheme – available via church committees
Member ( M)/Member and children cover (F) – R 15 000
Near Equivalent Products (NEPs)
NEP Features
Target market LSM 1 - 7
Sales channel Brokers Agents Call centres
Premium range R90 to R110
Cover R20,000 to R30,000
Waiting period 6 months
Other benefits pre-existing conditions 1-3 months grace prd Double accident cover Cash back Optional savings
Policies
Companies with NEPs
Metropolitan Life
Avbob
Assupol
Hollard
Momentum
Old Mutual
African Life/Sanlam Sky
Lion of Africa
NEP facts • Banks without NEPs • NEP extends marketing to LSM 7 • NEP sells more policies • Compliance with some Zimele features
• NEPs extend cover beyond immediate family • NEP more expensive • Sold through incentivised brokers and agents
Perceived issues with Zimele standards
Grace period + Same terms
Pre-existing conditions
Benefit cap
• Companies reluctant to offer more than 3 months on alternative products •Similarly with same terms reinstatement
• Maximum cover for funeral not adjusted for inflation
•Most Zimele products do not extend cover beyond immediate family
Premium
caps
• Implies caps on admin costs, distribution, etc…
Immediate family cover
• Experience with anti-selection
Price cap & Distribution B
anca
ssu
ran
ce
Zim
ele
• Makes up 60% of all Zimele policies in-force
• Policies cost 20% less than agent distr. Zimele
• Sold through bank branches
Oth
er Z
imel
e
R68 to R72 • Makes up at most
20% of all LSM 1 – 5 policies in-force
• Policies cost 20% more than Bancassurance Zimele
• Sold through outbound call centres
• Salaried staff
Nea
r E
qu
ival
ent
Pro
du
ct
Zimele price ceiling of R85
R90 – R110
• Makes up bulk of all LSM 1 – 5 policies in-force
• Costs about 10% more than other Zimele
• Sold through independent brokers and agents
Bottom Line:
• Distribution drives price differential
• Banks able to sell more and price cheaper
• NEPs: companies able to add more distribution costs to risk premium than for Zimele
The Zimele experience in summary
• Branding:
• Marketing • Limited collective industry marketing
• Low brand awareness in LSM 1 – 5
• Adoption: • About 10 life companies have Zimele products
• Take-up: • 3.5 million Zimele policies in-force. BUT…
• Funeral only
• Catalysis of NEPs
• Companies adopted brand •All Zimele compliant products carry the logo
RSA Retail Savings Bonds
Retail Savings Bond
South African Retail Savings Bond, launched in 2004 2 products a. RSA Fixed Rate Retail Savings Bond – 2, 3 or 5 year b. RSA Inflation Linked Retail Savings Bond – 3, 5 and 10 year maturity 3 steps a. Register b. Apply (select a bond or maturity) c. Pay Marketing •Road shows across •TV and radio shows Performance • R10 billion raised • Approximately 70,000 active accounts with 36,000 users •Apparently40% are from LSM 1-5
Fundisa
Fundisa
Pricing
Minimum of R40 per month
Or minimum of R480 per annum
Annual return on savings Market return + 25% bonus
Fees
up to 3% (excl. of VAT) fee
1.25% (excl. VAT) charged and
deducted from investment income
Monthly bank debit order charge
Who can invest? Anyone but beneficiary has to be
South African national in LSM 1 – 5.
Beneficiary age cut-off Beneficiaries can only be younger than
35 in order to earn bonus
How are savings utilised? Money saved can only be utilised to
study at a public college or university
that is recognised by the National
Student Financial Aid Scheme
Key outcomes • 16,000 Fundisa policies sold todate
• 60% sold to LSM 1 – 5
• Adoption of products limited to banks Key lessons • Limitedmarketing/limited brand awareness • Limited sales incentive
• Fees may exceed 3% commission • Bank account, debit order, other bank related costs • Total fees in the order of 28% of minimum monthly
premium
• FAIS
• Charter Exemption
• No scoring proposal
• Piloting might have deterred take-up
Current distributors/sellers of Fundisa
Stanlib
Nedbank
ABSA
( > 5,000 policies)
( < 1,000 policies)
Conclusions
Processes impact on standards
Product standards
Position paper
Market interest
FSC
Financial Sector Charter
FSC • Objective: Transformation, not just low income • Stalled: no actual points awarded since 2008 • Delivery on access objectives despite this • Distance between FSCC and industry associations (and
therefore standards) • Standards not required by FSC so not a deliverable in itself
but means to an end • Rely on the FSCC to enforce the standards • Resulted in watering down of compliance with standards
(NEPs counted, reporting not strictly kept to standards) • Structure of points not in line with objectives of standards (no
incentive beyond funeral, group compliance, take-overs, exemptions, etc)
• Targets and allocation need to be updated
Market interest
• Consider both consumers (access, value) and insurers (viability)
• Generalized vs specific • Stricter enforcement vs NEP • Viability: Were any of the standard requirements ultimately
too strict? Evidence suggests not (with few exceptions) • Product definition • Price caps in some cases • Distribution driver of success or failure rather than standards • Brand development and pooled marketing effort
Market interest
MI position paper
Product requirements • All products under ST and LT Acts • Risk only (excludes savings, cash back) • Benefits on sum assured basis (option to
review) • Benefits caps
• Life: R50k • In-life: R50k • Asset: R100k
• Max contract period: 12 months (renewable)
• Max waiting period: 6 months • Grace period: 1m for each year of
membership (max of 6) • Pre-existing conditions must be covered • Simplified policy documentation • Right to monetary benefit • File-and-use product approval process
Position paper Market conduct
• FAIS category for MI • Replace category A • Reduced entry requirements (read, write,
calculate) • Internal exam after 2 years • Basic advice on scripted basis
• Uncapped commission • Upfront component + as-and-when • Embedded products to be capped (e.g.
credit life) • Actuarial technician to certify total
premium • No selective renewals • Claims payment within 48 hours
Overview of selected requirements
MI position paper
Product requirements • All products under ST and LT Acts • Risk only (excludes savings, cash back) • Benefits on sum assured basis (option to
review) • Benefits caps
• Life: R50k • In-life: R50k • Asset: R100k
• Max contract period: 12 months (renewable)
• Max waiting period: 6 months • Grace period: 1m for each year of
membership (max of 6) • Pre-existing conditions must be covered • Simplified policy documentation • Right to monetary benefit • File-and-use product approval process
Position paper Market conduct
• FAIS category for MI • Replace category A • Reduced entry requirements (read, write,
calculate) • Internal exam after 2 years • Basic advice on scripted basis
• Uncapped commission • Upfront component + as-and-when • Embedded products to be capped (e.g.
credit life) • Actuarial technician to certify total
premium • No selective renewals • Claims payment within 48 hours
Overview of selected requirements
In relation to the Charter product standards: • Standards more generic and accommodate a wider range of products than
Charter standards • No income restrictions • No commission caps • Some aspects more restrictive: risk only, benefit caps, 12m max term,
credit life • A number of aspects mirrored: sum assured, max waiting periods, grace
periods, pre-existing conditions, simplification • Charter product standards referenced as reason for limited product
regulation: further regulation may follow • Addresses distribution
Where the standards successful?
• Compliance tool to assist companies in obtaining Charter points
• Assisting companies in reaching Charter targets • Catalyse better value, commercially viable products • Facilitate collective effort to develop the market • Establish trust in a common brand
Where the standards successful?
• Compliance tool to assist companies in obtaining Charter points • Stalled: no points awarded since 2008 • Limited scrutiny of reporting process by all parties (near-
compliant and LSM 1-5) • Yet Charter objectives have been achieved • Narrow Mzansi definition did not assist companies in
getting points
Where the standards successful?
• Assisting companies in reaching Charter targets • Dec 2010
• 3.5m Charter-compliant life policies (Target 3.2m) • 30k Charter-compliant short-term policies (Target 146k)
• Yet, Mzansi process may, in fact, have been more successful in assisting companies
• Zimele standards not required to reach funeral targets and not implemented beyond
• Lack of branding and marketing: no assistance in achieving targets
• If standards strictly applied, neither would have reached targets
Where the standards successful?
• Catalyse better value, commercially viable products Catalyse • Appropriate, affordable and accessible products for LSM 1-5 • ST: 2 compliant, 1 near, 2 access • LT: 10 compliant, 4 near • NEPs reflect learning and innovation beyond the standards Value • Mzansi too narrow • Take-up reflects perceived value but insufficient information to judge • Zimele limited to funeral • Missed opportunity to improve value on other products. Credit life not implemented at all • Better claims ratios for Zimele clients • Clients use features such as grace periods Viability • Mzansi: Profitable if sufficient scale • Zimele: Driven by access to distribution channel rather than product features (price cap) • Exceptions: specific risk experiences
Where the standards successful?
• Facilitate collective effort to develop the market • Collective product development (Mzansi more than Zimele) • Collective brand developed but very little marketing and
branding • Competition legislation allowed space
Where the standards successful?
• Establish trust in common brand • Mzansi: branding not incorporated in products and no
marketing • Zimele: branding incorporated but limited marketing • Without powerful brand, standards equate to voluntary
product regulation
Going forward?
Product standards
Position paper
Market interest
FSC
Issues to consider Objectives and approach • Clarify and reconcile objectives • Seek alignment with position paper • Commercial value may require stricter enforcement • Consider broader standards with stricter enforcement • “Comply or explain” approach may offer flexibility
without undermining standards Targets, accreditation and scoring • Scoring should be aligned with objectives agreed • Update target allocation (e.g. take-overs) • Review exemptions, free-rider points, group targets
and compliance • Accrediting and reporting of non-compliant products • Better coordination between FSCC and industry
associations Branding and marketing: • Collective and aggressive marketing • Seek regulatory endorsement Distribution • Continue to lobby for FAIS space • Leverage MI position paper
Thank you!
Questions or comments: [email protected]